Chapter 1 background to the water report


Local Community Water Authorities



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12.4.2 Local Community Water Authorities
One strategy available to remote Aboriginal and Torres Strait Islander communities is to form local community water authorities. Such a strategy provides for local determination of relevant standards, charges, levels of service and provides for an increased measure of self-determination. Such localised authorities would not limit the formation of co-operative ventures where a number of community water authorities might combine in a service agreement as a regional authority in order to achieve a more efficient level of service which they could control. They may choose to contract the task out to existing service providers.
Whilst local authorities may be guided by national standards they would also have the flexibility to interpret these in the context of their local environment and economic circumstances to allow them to give emphasis or priority to issues which were of local concern. These authorities individually or collectively could establish their own resource units to provide technical, commercial and training inputs. Local authorities would not necessarily have to adopt all the functions of a water authority: there would be options to use private contractors, consultants, or local councils to provide services.
Community water authorities would be block-funded to ensure not only that services were provided but also that training in service provision was undertaken from school onwards within the community. Funding should also include an amount which could be directed towards research and development to increase the options available to people in remote situations. This research and development component could be used by local water authorities to contract relevant work when required.
A recent recommendation of an Inquiry into Service and Resource Provision to Remote Aboriginal Communities in Western Australia recommends that
funds provided to local authorities by the local government grants commission to service Aboriginal communities to be pooled with funds provided by ATSIC and the AAPA for similar purposes. Such funds to be given directly as block grants to Aboriginal communities to allow the delivery of the municipal services which communities desire (Alexander 1991).
The report stopped short of recommending regional or local service authorities but went on to suggest that alternative service delivery arrangements within the mainstream framework need to be instituted.
In many situations, `normal' relationships do not exist between water authorities and Aboriginal communities because the services are privately owned by the community (ATSIC funded) and run at a cost to the Aboriginal communities. The WA Water Authority concluded that under these circumstances, there was little scope for introducing `user pays' and, by implication, many of the trends in the water industry would not adequately serve Aboriginal communities.
Whilst much effort is directed at the provision of water through cross-subsidies by larger water authorities, it may be more appropriate to strike a formula which requires larger authorities to allocate a dividend or equivalent of their cross-subsidy amount to be bulk-funded into a community authority rather than being allocated to their community service obligations.
Unlike many strategies, the community water authority option is not being put forward on the grounds that the resultant service might be more efficient, nor that it would be technically any better than the service provided by existing service providers. It is proposed because it is an option whereby control may be returned to Aboriginal and Torres Strait Islander people to allow them to resolve, in time, many issues raised in this Report. It is a process of handover which allows people with specialised knowledge to release that knowledge and the decision-taking to Aboriginal and Torres Strait Islander people in order that they themselves can determine their response.
12.4.3 Fostering Independent Technical Advice by Non-Government Organisations
This is a complementary strategy to the community water authority option.
By definition, governments are bound to certain policies, standards and methods of operation from which they have great difficulty departing, largely due to the weight of public opinion and the political process. Likewise, community organisations and peak Aboriginal and Torres Strait Islander organisations have political positions and claims they would make on governments which restrict their flexibility in negotiations. In addition, they often do not have recourse to a level of scientific and technical expertise which allows them to argue for different or more appropriate options.
There are a number of examples in the case studies which demonstrate the difficulties which occur because of the donor-recipient relationship between Government and Aboriginal and Torres Strait Islander communities. Internationally, non-government organisations (NGOs) such as the Red Cross or Community Aid Abroad have arisen to fill a role of negotiation and mediation between community groups and governments. The third-party NGO is not necessarily aligned with the stance of either group and has the opportunity to think laterally, explore within the community a diversity of views and opinions and to relieve governments of direct involvement in the process of negotiating appropriate outcomes.
The fostering of independent technical advice through NGOs (as in the international arena) to provide grass-roots input to technical decision-making is another way of ensuring greater control of service provision by communities, while at the same time resourcing communities with expertise responsive to community aspirations.
The presence of an independent organisation is more in keeping with a process approach to problem-solving. If it is agreed that water supply is a process occurring over time, then Aboriginal and Torres Strait Islander people need access to advice over time. The provision of such advice is dependent on consistency and trust in the group providing that advice. Whilst it is not impossible for local governments and consultants to engender this trust, the case studies reveal a level of scepticism in advice provided.
There would appear to be value in establishing a network of technical resource centres which concentrate their attention on the specific problems faced by communities. These groups would be independent of the service delivery networks and would not benefit financially as a result of the outcomes of their advice. Their contribution would be the provision of an independent stance and freedom to work at the grass-roots level as well as draw on the resources of technical agencies of government. NGOs are generally able to provide for a cross-cultural mix with a goal of increasing the participation of Aboriginal and Islander people. A significant benefit of such groups is their ability to maintain a continuous dialogue with intended beneficiaries and to adjust activities to meet needs on a continuous planning basis. In most situations, NGOs work on a process methodology and attempt to phase themselves out of the process as the local control grows.
12.5 Negotiation Protocols
The variability found in consultation and negotiation processes in the study indicates the need to detail and endorse accepted protocol for technical consultations.
Several writers (Wells 1973, Smillie 1991:215) have referred to the `three-tiered phenomena of the engineer, the economist and the bureaucrat and the way this triumvirate draws control away from the community.'
Engineers - whether working for government, Aboriginal and Torres Strait Islander organisations or private consulting firms - generally favour the most modern, technically efficient equipment which is usually capital rather than labour intensive, frequently urban-biased and of an inappropriate scale. Economists, unfamiliar with the technical aspects of a proposed solution to a problem, are prone to accepting the `best' engineering advice. By the time a proposal reaches the `bureaucrat' - an individual who is usually technologically conservative and traditionally averse to altering the status quo - the options have been substantially reduced and the decision is all but made.
What leeway remains in the decision-making process will normally be biased in favour of reducing the workload, especially in a situation where human resources are scarce, staff cutbacks are in place and demands on time are severe. This places a premium on economies of scale rather than one-off small interventions which are often more complex, have to be designed from the ground up and require more time, more judgment, more frequent trips to the community and greater risk.
In the public sector, risk avoidance - common to engineers, economists and bureaucrats alike - results in a low tolerance for deviation from established practices. There is also public pressure to achieve maximum benefits for the least amount of money, so untested, innovative solutions are less likely to be chosen.
In this type of situation, it is problematic whether Aboriginal and Torres Strait Islander people are being heard; and whether consultants, technologists and bureaucrats are attempting to see the problem from an indigenous point of view rather than formulating standardised solutions in order to minimise risk and reduce time involved in a costly consultative process. It is also problematic whether consultants and advisers to the community would know when they have achieved an informed consent from clients.
To overcome these problems, a protocol could be defined to be applied in all negotiations relating to new and existing service provision. The time and effort spent in observing the protocol should be funded or costed into a program in the same way that allowance is made for materials or contingencies. The requirement to observe the protocol should be included in the consultant's brief and would be binding on both parties; that is, it would stipulate obligations and responsibilities of both sides in completing a negotiation.
Appended to such a protocol would be a statement regarding the ethical considerations involved in working with an Aboriginal or Torres Strait Islander community. While such developments would be applicable across a number of disciplines, engineering is of particular relevance to the provision of water and sanitation.
The Institution of Engineers (Australia) has developed an extensive code of ethics which outlines seven tenets or rules governing professional behaviour for Institution members. Rule 1 of the code states:
the responsibility of engineers for the welfare, health and safety of the community shall at all times come before their responsibility to the profession, to sectional or private interests or to other engineers. (Institution of Engineers, 1988)
In the explanatory notes, it says in part that members shall work in conformity with acceptable engineering standards and not in such a manner as to jeopardise the public welfare, health or safety. However, throughout this Report it has been shown that standards, values and cultural pursuits are interdependent and strongly linked to technology. There needs to be some scope to introduce a clause which requires consultants to be aware of the cultural basis of their values and to ensure that they have adequately and actively attempted to access the value base of the client. Without this it is questionable whether the judgments or responsibility for welfare, health and safety are founded on Aboriginal values, or the culture of the engineer. This should in no way be interpreted to mean a lesser regard for safety in an Aboriginal community.
In many instances, a consideration of the value-basis of standards and technology may well take engineers outside their area of competence, which transgresses Rule 3 of their code.22 Thus Aboriginal and Torres Strait Islander communities must be aware that many of the technological solutions they request are `loaded': supported by values which may not be shared by them and that will ultimately modify their lifestyle.
Rule 5 states that `Engineers shall apply their skill and knowledge in the interest of their employer or client for whom they shall act, in professional matters as faithful agents and trustees'. This rule goes on to explain that members shall advise their clients or employers when, as a result of their studies, they believe that a project will not be viable. As many of the examples in this Report have shown, the viability of particular projects in Aboriginal and Torres Strait Islander communities has generally been associated with little more than technical feasibility. There are enough examples of malfunctioning technologies observed to suggest that elements of their viability were overlooked in the first analysis.
In the same way as engineering standards are value-laden, so also are concepts of viability. In fairness to Aboriginal people, a much broader definition of viability is necessary to avoid disappointment. Again, it is difficult for many Aboriginal and Torres Strait Islander people to accept statements recommending that they do not proceed with particular projects. The desire to identify one all-encompassing solution to a problem is just as strong in Aboriginal people as in non-Aboriginal people. There is often increased frustration if a consultant recommends a staged or phased response to a problem. Unless the recommendation can be placed in a broader framework, people tend to see it as a rejection of their desires. For this reason it is important that some technical input is available at the time of defining the problem. Too often, consultants are asked to detail a solution rather than examine and solve a problem. They are called in after expectations have been raised to specify the desired solution.
The semi-private nature of Aboriginal and Torres Strait Islander communities should also carry responsibilities for disclosure provisions about information and opinions gained in the process of working in the community. Many projects in Aboriginal communities are often developmental in nature. There are a number of examples of new waste disposal methods or modified sewage treatment systems which are built in communities without the community being aware that they are experimental or developmental. If the new techniques were being tried in the medical arena, there would be concerns regarding research ethics and consent, for example. The difficulty in the technical arena is how a consultant or funding organisation obtains an informed consent to undertake work when the technical implications are not evident.
A check-list such as the one suggested below may provide some guidance as to whether a consultant or service provider has achieved an informed consent.
What is the Problem?

How do people do it now?

Did people ask me to solve a problem or provide a solution?

Did they distinguish between what they want and what the need was?

How Have I Explained It?



How long have I spent in the community talking with people?

How many sessions did I spend with them?

Did I use models or sketches?

How Did They Explain It?



Did they provide any drawings, sketches, documentation of their ideas?

Have I outlined at least three separate options including do nothing?

Did I Outline The Cost and Recurrent Cost?



Have I costed options for both capital plus recurrent costs?

What is the size of the community budget and personal incomes in the community?

Have I constructed a story which explains the daily and weekly maintenance issues?

Do I Know What Resources Are Available?



Have I explained the skill and resource implications for this particular group of people?

What skills are available in the community?

Did I investigate the support networks available to their community from organisations, suppliers and nearest urban centres?

What training programs are available to support the proposed solution?

What Other Activities Are Occurring in the Community?



Have I attempted to see this technical issue in relation to broader housing infrastructure and social and cultural issues?

If I exchanged places with the client would I think this issue is important? Why?

Have I identified statements which are culturally biased or merely clichés and technical jargon?

Have I alerted people to other communities which have a similar problem and have solved it in similar or different ways?

Alternatively, are people aware they are the first community to use the particular solution or system?

Do I have any idea what the next need might be after this one is resolved?

What Else Does the Community Want Out of This?



What have the community indicated as their underlying goals regarding employment, young people, local participation, values, finances?

Have I been dealing with ATSIC, government departments, community advisers or community councils? Who is the client?

Have I set out where the aspirations and requirements of each of these groups might vary?

Do the options presented articulate or upgrade as people's aspirations change or are people locked in?
A similar check-list of questions may assist Aboriginal and Torres Strait Islanders determine their understanding of proposals being advanced.

Does this consultant appear to appreciate the values underlying our lifestyle?

Are we doing this because there is money in the budget or because we see this as the most important thing we should tackle?

Have we made sure everybody in the community who will be affected by this problem has had an opportunity to talk with the consultant?

Have we identified where this particular activity fits in our overall plan for the community?

Do the recommendations provide for increased control, employment and opportunity for people in our community?

Half our people are female and under the age of nineteen - how does this affect them?

How will we keep this solution going in 3, 5 or 10 years time?


These issues need to be discussed in detail by Aboriginal and Torres Strait Islander people to identify a protocol which can be recommended for use by technical consultants. Significant improvements in confidence and communication could result if negotiations, including the assumptions and discussions leading to the technical specification, were systematically documented. This would then provide for unbiased evaluation at a later point in time.
Many projects in overseas situations use logical framework project planning matrices which allow short summaries of assumptions, inputs and outputs that assist to document the process outcomes of a project as well as the technical specifications. It is a practice that, if adopted here, could well increase the level of professionalism in provision of services to Aboriginal and Torres Strait Islander communities.
12.6 Sustainable Development
It is quite clear from local and international experience that technology alone does not guarantee the achievement of higher order goals such as self-determination, maintenance of culture, improved health etc. In solving one set of problems technology invariably creates another.
The concept of sustainability has been overused and its meaning has become somewhat debased. In hard economic times, sustainability takes on a meaning of self-sustainability or the capacity of a project or activity to stand on its own financially when external support is withdrawn. This fundamental interpreta­tion leads to programming efforts focused on narrow, short term economic concerns which fail to appreciate the broader context within which genuine sustainability must exist. To some degree, sustainability has arisen as a concept in recognition of the limits to growth and development and does not sit easily with people who have hitherto been denied development opportunities.
Sustainable development is a cultural adaptation made by society as it becomes aware of the emerging necessity of non-growth (Daly cited in Smillie 1991:46).
The implications of this argument in the context of Aboriginal and Torres Strait Islander water supplies is that many systems are designed using technologies and techniques which work in urban structures where economies of scale increase feasibility and resources are more plentiful. As economic trends change, the vulnerabilities of these technologies will be felt first in remote isolated situations. Increased fuel prices are a good example of this. So whilst it might be argued that sustainability should be directed at those who have reached a desirable level of development, the reality is that the implications will be felt initially by Aboriginal and Torres Strait Islander people.
The move to conserve water resources in Australia and the world is a response to the increasing urban use of water. In many small communities, this may not be as critical provided the level of development in the community does not extend to the level of service provided in the urban setting. Consequently, the responses adopted nationally may not be as applicable in the remote situation.
There is broad consensus among alternative thinkers that decentralisation and local accountability must be the key features of a sustainable eco-economy (Korten 1991:184).
Nevertheless, while dependency is in place and funding for projects is driven by principles of equity and justice discussed earlier, there will be a tendency to encourage activities which are not sustainable in Aboriginal and Torres Strait Islander communities. For example, diesel-powered technologies are most flexible and adaptable in remote communities and provide a known solution. Changes in fuel costs or application of full cost recovery may well cause people to reassess their dependence on this particular technology.
It is therefore inappropriate for Aboriginal people to choose technologies without considering the level of dependence reflected in those solutions and the impact on their community of choosing particular options. It could also be argued that it is unethical to encourage levels of service and associated technologies for communities when the recurrent resources are not identified.
There are also other issues regarding sustainable development which require consideration. Under community control, sustainable development may be localised, selective and have differential growth patterns, whereas with a regional focus (such as ATSIC Regional Plans) it tends to be generalised with an economic impetus. Service provision needs to be sustained at both levels.
The challenge is how the two levels of development may be integrated to provide a regional development framework which tolerates localised activity. In the same way that sustainable development is not possible without careful technology choice from the mainstream of technologies or through the development of appropriate local technologies, it is also impeded by inappropriate regional development foci.
Many of the benefits sought by communities are only available as a result of technical intervention. If the technology cannot be sustained or maintained and replaced in a timely fashion, the benefits disappear. It is in the context of sustainability that concepts of equity need to be reassessed to encompass issues of self-determination, independence and control and relevance of training. There are numerous instances in the Report that indicate that longer term problems resulting from neglect of these aspects of technology choice and the provision of equality in services will have disastrous implications for Australians in general.
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